Document 3eLyjeG9O5qKkLYNRM39vkKKE

v.* rf.'ii*. > in M. SHELL OIL COMPANY f-fC*f.NCE I D-rR '-"f, K I f.'.FG cc^:pTl To DEER PARK MANUFACTURING COMPLEX - DEC 1L55 ' 1977 GENERAL MANAGER*- F"--------------- ------------r COPY C:\ ? MANUFACTURING COMPLEX MANAGERS j MARTINEZ WILMINGTON NORCO SU-'T '.ONS REFINERY MANAGERS AN A CORTES WOOD RIVER ODESSA/CINIZA (2) Lb_ t'l' 'Fi'CS L UPfrr '51 mi C*C >c IrtR>l&iS CHEMICAL PLANT MANAGERS DENVER MOBILE EL PASO PRINCETON GEISMAR WOODBURY MARIETTA date DECEMBER 12, 197 7 from GENERAL MANAGER MANUFACTURING ASBESTOs\- MEDICAL MONITORING St,?T#PER RES In 1972, we advised that all employees whose jobs required them to MO rk regularly with asbestos or asbestos-containing products which exposed the m to TWA levels above 1 f/cc should be included in the Corporate Medical $y*t'0PES OL^ rogram. On June 28, 1977, the U.S. Court of Appeals for the District of slouch (joiumhia ruled that the asbestos standard requires medical examinations for jhose in occupations exposed to airborne asbestos "in any measurable X ;oncentration". A letter from Dr. Joyner, along with a legal opinion from IICR CHEU nx rynn Aurelius, suggest a change in our 1972 advice. SURf MAINE S On this basis, we are revising our 1972 guidance to include in the ifiedical surveillance program all employees who are regularly exposed to .isbestos fibers greater than 5 microns long in concentrations above 0.1 f/cc sarTief* res or 8 hour TWA. We believe this is a reasonable level for defining "exposure' ,3 j SURI REFINERY uantitatively at this time. The intent is to include people who work with isbestos-containing products on a regular basis. For example, candidates for exposure monitoring would include the maintenance man who repairs asbestos- :ontaining insulation or the one who cuts it from around valves on a regular SUF'TlRPER >as is. We anticipate that this new protocol will require you to identify su^tmaintn~-hose jobs in which people may be "regularly" exposed, conduct appropriate -nonitoring to determine the exposure level and include in the medical '"hc-rdispatch monitoring program those exposed above 0.1 f/cc TWA. Please provide to t&s heir fciJ"Dr. Joyner a list of employees who are included in the medical monitoring `program. 4>\ It has been shown that people who both smoke and work with asbestos are several times more at risk to develop lung cancer than those who work s-jki mzicon tfith asbestos, but don't smoke. People who Are identified as having asbestos PY! McOM-i Uh exposure should be fully informed about this synergistic effect. MUR COMM RL LAM 019020 a Return- to Central F-) |i a D P M C -1 2 6 4 3 2 Should you have any questions, please contact the Manufacturing Safety and Health Department. Attachments cc - Messrs. R. E. Joyner, M.D. H. L. Kusnetz M. B. Slomka, M.D. (a) - $ v W. A. Carpenter, Jr. LAM 019021 DPMC-12644 V.' It. . oHELL OIL COMPANY fl[ PlfJC.l JO SEE ATTACHED LIST date from DECEMBER 6, 197 7 CORPORATE MEDICAL DIRECTOR subject MEDICAL SURVEILLANCE UNDER ASBESTOS STANDARD The memo on this subject dated November 13, 1972 from the Manager - Industrial Hygiene and the Corporate Medical Director recommended exposure levels at which medical surveillance should be instituted. Since that time, recommendations for allowable exposures have been lowered. This fact, along with the recent decision in the GAF case (see attached legal opinion), leads me to reappraise the former recommendation. On the basis of the legal opinion, Corporate Medical now believes it would be" appropriate and prudent to include in the medical surveillance programs all employees in the following categories: 1. All employees whose jobs require them to work regularly with asbestos, or asbestos-containing insulation and other products. This would include, but not be limited to, employees recognized or assigned as insulators. 2. All other employees who may use or be in contact with asbestos or asbestos-containing materials where the level of exposure can be established as exceeding 0.1 fibers greater than 5 microns in length per cubic centimeter (TWA). When appropriate air monitoring has established which employees are to be included in the medical surveillance program at each location, I would appreciate receiving a list of the names of employees so identified. I would be happy to discuss this further should you have any questions. Attachment R. E. Joyner, M.D. Corporate Medical Director LAM 019022 DPMC-12645 SHELL OIL COMPANY oau NOVEMBER 22, 1977 o HEALTH, SAFETY AND ENVIRONMENT - CORPORATE MEDICAL DIRECTOR - DR. R. E. JOYNER om ENVIRONMENT, LABOR AND LITIGATION DEPARTMENT HEAD OFFICE LEGAL simjrcT OSHA ASBESTOS STANDARD MEDICAL EXAMINATIONS rynn F. Aurelius At tachcient n eTTu I" v e u cc: (w/Attachment) Wl 2 311 Head Office Manufacturing - Safety and Health - Manager - R. L. Brunnei Safety and Industrial Hygiene - Manager - H. L. Kusnetz coarcftAit ajccicai KO a CCM MF3 FT!) jos JD3 K'FL CAS RAO VIM ADI rj JAW __ 0A5 jch RJN 11 -- ---- - AC HON ixrofiiWic.N LAM 019023 flic DPMC-12646